About your Search

20121201
20121231
Search Results 0 to 1 of about 2
are largely standing on the sideline here. bob's organization put out an excellent report last week people should look at my organization. usip data private study. right now u.s. policy, also civil society and others were sitting on the sidelines here or there was a desire among local forces including younger islamists who want to bring about changes in their political movement in for the large purse sitting on the sidelines here we need to do more. >> we need to move on to the q&a portion here. a few questions from the audience. if you have a question, research and peer to microphone circulating. 10 minutes before we begin to wrap a. >> my name is -- [inaudible] -- washington d.c. what's missing on discussions is the fact that islamists have nothing to offer except for sharia law and muslims are fed up with the sharia law. the other point is there's a new new generation of arabs that face the people. i wrote an article about this, who are very different than their fathers and grandfathers. which we should be focusing on. >> can make it to a question? >> -- something we should be focusing
to trade through competitive venues and clearing houses. >> thank you. let me ask mr. bob a question regarding the inner affiliate swaps. can you speak to how the cftc ruled compared to a bill that we had come to h.r. 2779 and whether you think that margin in turn enhances the markup for inner affiliate swaps because i'm thinking of companies in my jurisdictions who have really indicated to me that inner affiliate trade is the credit risk really is not very. it's just a book entry or central risk and hedging purposes. so, can you tell me how the cftc's rule would apply? >> sure. you're absolutely right, congresswoman moore. this is an important issue in your bill is still needed. now the cftc proposed rule is helpful. there's no question they have created an exception for enter affiliate swaps that applies to nonfinancial end-users. the problem is there are two key issues, two problems not addressed by the cftc will. everyone, nonfinancial end-users have an eight step process or a criteria process financial users must meet and what criteria is posting margin between affiliates. again
Search Results 0 to 1 of about 2